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| {{#Wiki_filter:}} | | {{#Wiki_filter:From: Charles Langley To: Liu, Tilda Cc: Paul; Nina Babiarz |
| | |
| | ==Subject:== |
| | [External_Sender] New information on October 13, 2021, 10 CFR 2.206 Petition by Public Watchdogs Date: Tuesday, March 30, 2021 1:06:25 PM |
| | |
| | ==Dear Ms. Liu,== |
| | |
| | We have new information related to our October 13, 2021 10 CFR 2.206 petition. |
| | This information is the result of a March 18, 2021 SONGS "Community Engagement Panel Meeting," which was recorded by the licensee, Southern California Edison at www.songscommunity.com, and also as a result of new NRC disclosures made during our recent PRB meeting. |
| | New issue 1: Water intrusion into canisters is an unanalyzed condition In an official email from the NRC to Tom Palmisano of SCE discussing: |
| | RE: Criticality impact of thin-wall dry storage canisters Date: Thursday, December 21, 2017 2:15:00 PM the NRC stated: |
| | "the criticality safety control during storage does rely on the exclusion of water from the canister, and that is what led the NRC staff to ask Holtec to evaluate how criticality will be prevented." (emphasis ours). |
| | The radiological impact of criticality in the event of internal flooding and loss of canister integrity has not been analyzed. The risk of this event has not been assessed by either the NRC or the licensee other than unsupported statements that this event is not credible. This is an unanalyzed event. |
| | QUESTION: What is the radiological impact of an inadvertent criticality in the event of a loss of canister integrity and internal flooding? |
| | New issue 2: Emergency response equipment inventory In its FSAR Technical Specifications (TS) the licensee discusses recovery from an analyzed flooding event as inserting some type of suction device to remove water and debris. This procedure is allegedly discussed in the site emergency plan. |
| | FOIA 2021-000114 requested this site emergency plan and the FOIA branch provides a reference to this document athttps://www.nrc.gov/docs/ML2025/ML20255A126.html. |
| | Unfortunately this emergency plan does not discuss flooding or recovery from a flooding event. |
| | The licensee appears to have no equipment such as pumps, special high temperature hoses, disposal provisions for radioactive water, pure water supplies, readily available and sufficient time to prevent fuel damage that is stated to be either 8 or 32 hours according to the analysis summary. |
| | |
| | QUESTION: Please provide a list of the equipment on site at the San Onofre ISFSI for recovery from a flooding event. Please identify the suction device used for removing sand, mud, water and gravel from the Canister Enclosure Cavity. |
| | New issue 3: Analyses supporting "not credible" finding The licensee has submitted its FSAR and COC for the ISFSI. The NRC has approved these documents. Within these documents the licensee has stated numerous times that failure of the Holtec Canisters is Not Credible in response to the integrity requirement of 10 CFR 72.236(l) therefore avoiding any and all requirements to assure integrity. The NRC has formally declined to answer these questions. The NRC has stated in writing that it agrees with this statement. |
| | The licensee and the NRC have avoided addressing all the requirements of 10 CFR 72.122 and 10 CFR 72.236 by making an unsupported statement that loss of integrity is not credible. |
| | QUESTION:Please identify a fact-based analysis that supports the statement that loss of canister integrity is "not credible." |
| | New issue 4: Seawall as a damage barrier for spent nuclear fuel The sea wall between the SONGS ISFSI and the beach is considered to be a component important to safety as defined in 10 CFR 72.3 to prevent damage to the spent fuel, the high-level radioactive waste, or reactor-related GTCC waste container during handling and storage; This sea wall is not designed, constructed, tested to assure its assumed capability to restrain or prevent the impact of the forces of a storm surge or a tsunami as required by 10 CFR 72, Subpart GQuality Assurance. There is no docketed information discussing compliance of this wall as required. |
| | The licensee must provide documentation that this barrier, assumed to prevent flooding, is designed and qualified to meet its intended function. |
| | QUESTION: Please identify the documents establishing that a seawall prevents damage to spent fuel, and is therefore a "component important to safety." |
| | QUESTION: Please provide documentation proving that the seawall is engineered to withstand a tsunami or other large wave. |
| | Respectfully Submitted, Charles Langley, Executive Director Public Watchdogs (858) 384-2139 www.publicwatchdogs.org 7867 Convoy Court, Suite 302, San Diego CA 92111}} |
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Category:E-Mail
MONTHYEARML24017A2432024-01-15015 January 2024 LTR-24-0008 Paul Blanch, E-mails Request for Formal Response to Requests for Meeting to Discuss Safety Issues with NRC Staff ML22348A0322022-11-30030 November 2022 NRR E-mail Capture - Request to Resume Endangered Species Act Section 7 Consultation for Decommissioning of San Onofre Nuclear Generating Station, Units 2 and 3 ML22348A0532022-11-30030 November 2022 NRC to National Marine Fisheries Service (Nmfs), Request to Resume Endangered Species Act Consultation for Decommissioning of San Onofre Nuclear Generating Station, Units 2 and 3 ML22278A0182022-10-0404 October 2022 (SONGS) Unit 2 Reactor Head and Closure of Commitments Related to Peaceful Use of Foreign Technology- Acknowledge Receipt ML22265A2122022-09-22022 September 2022 Request for Additional Information for Exemption Request from 100m 72.106(B) Requirement, Docket Nos 50-206, 50-361, and 50-362 ML22119A2422022-04-29029 April 2022 Riv FOLLOW-UP Response: Question About April 11 San Onofre Event ML22034A9962022-02-0202 February 2022 S. Morris Response to C. Langley-Questions About Moving Snf at San Onfre ML21280A1022021-12-0606 December 2021 NRC to NMFS, Supplement to Request to Reinitiate Endangered Species Act Consultation for San Onofre Decommissioning ML21277A2342021-09-30030 September 2021 NMFS to NRC, Receipt of Request to Reinitiate Endangered Species Act Consultation for San Onofre Decommissioning ML21242A0602021-09-30030 September 2021 NRC to NMFS, Request to Initiate Consultation for SONGS Decommissioning ML21117A3492021-03-30030 March 2021 March 30, 2021, Email from Public Watchdogs on Providing New Information to Its October 13, 2020, 2.206 Petition ML21069A2482021-03-10010 March 2021 Umax, 07200054, 05000361, 05000362, FSAR Revision 4 for San Onofre ISFSI ML21068A2712021-03-0909 March 2021 Request for Additional Information Regarding Biological Opinion - SONGS- EPID L-2021-LLL-0006 ML20343A1292020-12-0808 December 2020 NRR E-mail Capture - Request for Additional Information ML20302A3252020-10-21021 October 2020 E-Mail: Acknowledgement of Receipt to the Petitioner Regarding SCE Use of Hi-Storm at SONGS ML20233A7342020-08-18018 August 2020 LTR-20-0313 David Victor, San Onofre Nuclear Generating Station (SONGS) Community Engagement Panel, Chair, Et Al., Letter Independent Spent Fuel Storage Installation Security at SONGS and Recent SONGS Community Engagement Panel Meeting on O ML20224A0172020-08-0707 August 2020 8-7-20 Corrected Hearing Time - Intervenor SCEs Acknowledgement of Oral Argument Notice (9th Cir.)(Case No. 20-70899) ML20224A0182020-08-0707 August 2020 8-7-20 Intervenor SCEs Acknowledgement of Oral Argument Notice (9th Cir.)(Case No. 20-70899) ML20204B0782020-07-22022 July 2020 Donna Gilmore Email Holtec Umax Materials (07200054, 05000361, 05000362) ML20198M4522020-07-15015 July 2020 Supplement to Public Watchdogs 2.206 Petition ML20163A3402020-05-0505 May 2020 Email Transmission - Peaceful Use Commitments State Dept for SONGS Rx Heads and Steam Generators ML20120A0282020-04-28028 April 2020 4-28-20 Notice of Addition of James Adler as Attorney for NRC (9th Cir.)(Case No. 20-70899) ML20076A5742020-03-11011 March 2020 Response to A.Mcnally San Onofre Canisters (LTR-20-0003) ML20062F5762020-02-28028 February 2020 Public Watchdogs 10 CFR 2.206 Petition - NRC E-mail to Petitioner Regarding Petition Screening Results February 28, 2020 ML20063M3092020-02-28028 February 2020 Public Watchdogs 10 CFR 2.206 Petition - Response from Petitioner to NRC E-mail Regarding Petition Screening Results, February 28, 2020 ML20059M2292020-02-25025 February 2020 OEDO-20-00053 2.206 Petition - Flooding Likely to Create Radioactive Geysers at SONGS ML20049A0802020-02-14014 February 2020 Public Watchdogs 10 CFR 2.206 Petition - E-mail to Petitioner on Immediate Actions Request Determination February 14, 2020 ML20007E5342020-01-0606 January 2020 Oceansiders Initial Assessment & Public Meeting Response E-Mail ML20006D7012019-12-23023 December 2019 Public Watchdogs 10 CFR 2.206 Petition SONGS - Petitioner Request for Public Meeting and NRC Response - December 23, 2019 ML19354B6762019-12-20020 December 2019 2.206 Petition Initial Assessment Notification E-Mail ML19325C5902019-11-20020 November 2019 2.206 Petition Status Notification Email ML19326B2392019-11-18018 November 2019 Public Watchdogs 10 CFR 2.206 Petition SONGS - Screened-in and PRB November 18, 2019 ML19319B6262019-11-0808 November 2019 Oceansiders 2.206 Petition Immediate Action Response E-Mail ML19326A7122019-10-30030 October 2019 Public Watchdogs 10 CFR 2.206 Petition - SONGS Receipt of Exhibits October 30, 2019 ML19326A9692019-10-25025 October 2019 Public Watchdogs 10 CFR 2.206 Petition - SONGS Immediate Action Determination October 25, 2019 ML19326A3602019-10-23023 October 2019 Public Watchdogs 10 CFR 2.206 Petition - SONGS First E-mail to Petitioner October 23, 2019 ML19284B3232019-10-0808 October 2019 Response LTR-19-0351 Kalene Walker, E-mail Concerns About Critical Safety Problems with Holtec Nuclear Waste Storage System at San Onofre ML19344C7842019-09-0303 September 2019 Response from NEIMA Local Community Advisory Board Questionnaire 09-03-2019 RSCS ML19344C7212019-08-30030 August 2019 Response from NEIMA Local Community Advisory Board Questionnaire 08-30-2019 J Steinmetz ML19214A1362019-08-0202 August 2019 Riv Pao Response to Mr. Langley Response to Inquiry ML19217A1862019-08-0202 August 2019 E-Mail from M. Layton/Nrc to K. Walker/Public San Onofre - SONGS Special Inspection - Damaged Canisters ML19221B4122019-07-30030 July 2019 Southern California Edison Company, Southern California Nuclear Generating Station, E-mail from Charles Langley to Scott Morris, NRC, Redundant Drop Protection Features at SONGS ML19210D4292019-07-29029 July 2019 E-Mail from M. Layton/Nrc to D. Gilmore/Public Reply to E-Mail Questions ML19213A1072019-07-29029 July 2019 Reply to Mr. Langley Re. Redundant Drop Protection Feature at SONGS ML19210D4342019-07-11011 July 2019 Curtiss-Wright SAS - 10 CFR Part 21 Reporting of Defects for Introl Positioner 890265-010 ML19190A0432019-06-28028 June 2019 Discusses Proprietary Information for Curtiss-Wright SAS - 10 CFR Part 21 Reporting of Defects for Introl Positioner 890265-010 - Cw SAS Initial Report No. 10CFR21-48 ML19165A1102019-06-11011 June 2019 SONGS Webinar (6-3-2019) Message - Sarah Akerson ML19190A0442019-06-0707 June 2019 10 CFR Part 21 Reporting of Defects for Introl Positioner 890265-010 - Cw SAS Initial Report No. 10CFR21-48 ML19158A4432019-06-0404 June 2019 Southern California Edison Company; Scratches on Nuclear Storage Canisters at San Onofre Pose No Problems, NRC Says After Its Own Analysis - Orange County Register ML19156A1422019-06-0404 June 2019 LTR-19-0218 Donna Gilmore, Sanonofresafety.Org, E-mail Scratches on Nuclear Storage Canisters at San Onofre 2024-01-15
[Table view] Category:Request for Additional Information (RAI)
MONTHYEARML21117A3492021-03-30030 March 2021 March 30, 2021, Email from Public Watchdogs on Providing New Information to Its October 13, 2020, 2.206 Petition ML21068A2722021-03-0909 March 2021 SONGS Endangered Species Act Additional Information Request ML20343A1292020-12-0808 December 2020 NRR E-mail Capture - Request for Additional Information ML18193A2002018-07-19019 July 2018 SONGS ISFSI Only Dqap RAI ML15083A4552015-03-27027 March 2015 and Independent Spent Fuel Storage Installation - Request for Additional Information Decommissioning Quality Assurance Program Review ML15071A1842015-03-19019 March 2015 Independent Spent Fuel Storage Installation - Request for Additional Information Regarding the 10 CFR 50.54(p) Changes to the Security Plans ML15042A3942015-01-23023 January 2015 NRR E-mail Capture - SONGS - Draft RAI Permanently Defueled Technical Specifications License Amendment Request ML15033A0522014-12-11011 December 2014 NRR E-mail Capture - SONGS - Draft RAI Permanently Defueled Technical Specifications License Amendment Request ML14248A5902014-09-18018 September 2014 Independent Spent Fuel Storage Installation - Request for Additional Information, Amendment Request to Revise Emergency Plan to Support Permanently Defueled Condition ML14248A5602014-09-18018 September 2014 Independent Spent Fuel Storage Installation - Request for Additional Information, Amendment Request to Revise Emergency Action Level Scheme to Support Permanently Defueled Condition ML14258A0172014-09-11011 September 2014 NRR E-mail Capture - SONGS - Revised Draft RAI Concerning TS Section 5 Administrative Controls License Amendment Request (TACs MF2954 and MF2955) ML14209A0052014-08-27027 August 2014 Request for Additional Information, Exemption Request from 10 CFR 50.47 and 10 CFR Part 50 Appendix E, Discontinue Offsite Emergency Planning Activities and Reduce Scope of Onsite Emergency Planning (TAC MF3835-MF3837) ML14139A4782014-06-0505 June 2014 Request for Additional Information, License Amendment Request to Revise Technical Specifications 5.1, 5.2, and 5.3 to Reflect Reduced Staffing/Training in Permanently Shutdown and Defueled Condition ML14093A6772014-05-0101 May 2014 SONGS - Request for Additional Information Concerning Pre-Emption Authority ML13352A0912013-12-30030 December 2013 Decommissioning Funding Status Report - Request for Additional Information ML13191A8372013-09-12012 September 2013 Request for Additional Information, Review of Decommissioning Funding Status Report ML13154A4312013-06-0404 June 2013 Rai'S Following Ifib Analysis of Edison'S 2013 Decommissioning Funding Status Report for San Onofre Units 2 and 3 ML13113A2562013-05-10010 May 2013 Request for Additional Information No. 73 Regarding Response to Confirmatory Action Letter ML13072A0542013-03-18018 March 2013 Redacted, Request for Additional Information, Nos. 33-67, Southern California Edison'S Response to Nrc'S Confirmatory Action Letter ML13074A6872013-03-15015 March 2013 Email, Draft Request for Additional Information, Nos. 68-72, Southern California Edison'S Response to Nrc'S Confirmatory Action Letter ML13053A1842013-02-21021 February 2013 Draft Request for Additional Information, Nos. 53-67, Southern California Edison'S Response to Nrc'S Confirmatory Action Letter ML13056A0922013-02-20020 February 2013 Email, Draft Request for Additional Information Nos. 38-52, Southern California Edison'S Response to Nrc'S Confirmatory Action Letter ML13053A3672013-02-0101 February 2013 E-mail, Draft Request for Additional Information Southern California Edison'S Response to Nrc'S Confirmatory Action Letter ML12356A1982012-12-20020 December 2012 Email, Request for Additional Information, Round 3, Review of Southern California Edison'S Response to Nrc'S 3/27/2012 Confirmatory Action Letter (CAL) 4-12-001 and Return to Service Report ML12345A4272012-12-10010 December 2012 Revised Email, Request for Additional Information Review of Southern California Edison'S Response to Nrc'S 3/27/2012 Confirmatory Action Letter (CAL) 4-12-001 and Return to Service Report ML12338A1102012-11-30030 November 2012 Email, Request for Additional Information Southern California Edison'S Response to Nrc'S Confirmatory Action Letter (CAL) 4-12-001 Dated March 27, 2012 ML12313A4752012-11-0808 November 2012 Request for Additional Information Email, Relief Request IST-4-P-2, ASME OM Code Requirements for Testing CSS and LPSI Pumps, Fourth 10-Year Inservice Inspection Interval ML12297A3972012-10-23023 October 2012 Request for Additional Information Email, Relief Request ISI-3-36, Reactor Coolant Pressure Boundary Testing, Third 10-Year Inservice Inspection Interval ML12283A2302012-10-0909 October 2012 Request for Additional Information Email, Round 3 W/Corrected Due Date, Request to Revise Technical Specification (TS) 2.1.1.2, TS 4.2.1, and TS 5.7.1.5, to Support Unrestricted Use of Areva Fuel ML12283A2252012-10-0909 October 2012 Request for Additional Information Email, Round 3, Request to Revise Technical Specification (TS) 2.1.1.2, TS 4.2.1, and TS 5.7.1.5, to Support Unrestricted Use of Areva Fuel ML12220A0492012-08-0707 August 2012 Request for Additional Information Email, Round 2, License Amendment Request to Revise Technical Specification (TS) 2.1.1.2, TS 4.2.1, and TS 5.7.1.5, to Support Unrestricted Use of Areva Fuel ML12207A2612012-08-0101 August 2012 Redacted, Request for Additional Information, License Amendment Request to Revise Technical Specification (TS) 2.1.1.2, TS 4.2.1, and TS 5.7.1.5, to Support Unrestricted Use of Areva Fuel ML12201A1552012-07-19019 July 2012 R. Onge Ltr Request for Additional Information Decommissioning Funding ML12056A0502012-03-12012 March 2012 Enclosure 4 - Recommendation 2.3: Flooding ML12056A0512012-03-12012 March 2012 Enclosure 5 - Recommendation 9.3: Emergency Preparedness ML12056A0482012-03-12012 March 2012 Enclosure 2 - Recommendation 2.1: Flooding ML12056A0472012-03-12012 March 2012 Enclosure 1 - Recommendation 2.1: Seismic ML12056A0492012-03-12012 March 2012 Enclosure 3 - Recommendation 2.3: Seismic ML1200603242012-01-19019 January 2012 Fleet, RAI, Proposed Alternative to Use American Society of Mechanical Engineers (ASME) Boiler and Pressure Vessel Code Case N-789 (N-789) ML1126604602011-10-14014 October 2011 Request for Additional Information Regarding Use of American Concrete Institute Reports for Restoration of Unit 3 Containment ML11182C0322011-06-30030 June 2011 Notification of Inspection (Inspection Report 05000361; 05000362/2011004) and Request for Information ML1113003952011-05-10010 May 2011 Email, Draft Request for Additional Information, Review of Biennial Decommissioning Funding Status Report ML1113004002011-05-10010 May 2011 Draft Request for Additional Information, Review of Biennial Decommissioning Funding Status Report ML1112307842011-05-0303 May 2011 Draft Request for Additional Information, Relief Requests ISI-3-32 Through ISI-3-34, Alternative to Requirements for Examinations of Welds and Core Support Structure Surfaces, Third 10-Year Inservice Inspection ML1106006612011-03-0101 March 2011 Draft Generic Request for Additional Information, License Amendment Request to Revise License Condition and Approve Cyber Security Plan ML1024301262010-08-31031 August 2010 Request for Additional Information Relief Request ISI-3-31 ML1022404532010-08-11011 August 2010 Draft Request for Additional Information LAR on Fuel Assembly Movement ML0933601212009-12-0202 December 2009 Request for Additional Information Relief Request ISI-3-30 ML0831705532008-12-0808 December 2008 Request for Additional Information, License Amendment Request to Support Replacement Steam Generators ML0831901202008-11-26026 November 2008 Request for Additional Information Test Protocol Used in the Testing at Vuez 2021-03-09
[Table view] |
Text
From: Charles Langley To: Liu, Tilda Cc: Paul; Nina Babiarz
Subject:
[External_Sender] New information on October 13, 2021, 10 CFR 2.206 Petition by Public Watchdogs Date: Tuesday, March 30, 2021 1:06:25 PM
Dear Ms. Liu,
We have new information related to our October 13, 2021 10 CFR 2.206 petition.
This information is the result of a March 18, 2021 SONGS "Community Engagement Panel Meeting," which was recorded by the licensee, Southern California Edison at www.songscommunity.com, and also as a result of new NRC disclosures made during our recent PRB meeting.
New issue 1: Water intrusion into canisters is an unanalyzed condition In an official email from the NRC to Tom Palmisano of SCE discussing:
RE: Criticality impact of thin-wall dry storage canisters Date: Thursday, December 21, 2017 2:15:00 PM the NRC stated:
"the criticality safety control during storage does rely on the exclusion of water from the canister, and that is what led the NRC staff to ask Holtec to evaluate how criticality will be prevented." (emphasis ours).
The radiological impact of criticality in the event of internal flooding and loss of canister integrity has not been analyzed. The risk of this event has not been assessed by either the NRC or the licensee other than unsupported statements that this event is not credible. This is an unanalyzed event.
QUESTION: What is the radiological impact of an inadvertent criticality in the event of a loss of canister integrity and internal flooding?
New issue 2: Emergency response equipment inventory In its FSAR Technical Specifications (TS) the licensee discusses recovery from an analyzed flooding event as inserting some type of suction device to remove water and debris. This procedure is allegedly discussed in the site emergency plan.
FOIA 2021-000114 requested this site emergency plan and the FOIA branch provides a reference to this document athttps://www.nrc.gov/docs/ML2025/ML20255A126.html.
Unfortunately this emergency plan does not discuss flooding or recovery from a flooding event.
The licensee appears to have no equipment such as pumps, special high temperature hoses, disposal provisions for radioactive water, pure water supplies, readily available and sufficient time to prevent fuel damage that is stated to be either 8 or 32 hours3.703704e-4 days <br />0.00889 hours <br />5.291005e-5 weeks <br />1.2176e-5 months <br /> according to the analysis summary.
QUESTION: Please provide a list of the equipment on site at the San Onofre ISFSI for recovery from a flooding event. Please identify the suction device used for removing sand, mud, water and gravel from the Canister Enclosure Cavity.
New issue 3: Analyses supporting "not credible" finding The licensee has submitted its FSAR and COC for the ISFSI. The NRC has approved these documents. Within these documents the licensee has stated numerous times that failure of the Holtec Canisters is Not Credible in response to the integrity requirement of 10 CFR 72.236(l) therefore avoiding any and all requirements to assure integrity. The NRC has formally declined to answer these questions. The NRC has stated in writing that it agrees with this statement.
The licensee and the NRC have avoided addressing all the requirements of 10 CFR 72.122 and 10 CFR 72.236 by making an unsupported statement that loss of integrity is not credible.
QUESTION:Please identify a fact-based analysis that supports the statement that loss of canister integrity is "not credible."
New issue 4: Seawall as a damage barrier for spent nuclear fuel The sea wall between the SONGS ISFSI and the beach is considered to be a component important to safety as defined in 10 CFR 72.3 to prevent damage to the spent fuel, the high-level radioactive waste, or reactor-related GTCC waste container during handling and storage; This sea wall is not designed, constructed, tested to assure its assumed capability to restrain or prevent the impact of the forces of a storm surge or a tsunami as required by 10 CFR 72, Subpart GQuality Assurance. There is no docketed information discussing compliance of this wall as required.
The licensee must provide documentation that this barrier, assumed to prevent flooding, is designed and qualified to meet its intended function.
QUESTION: Please identify the documents establishing that a seawall prevents damage to spent fuel, and is therefore a "component important to safety."
QUESTION: Please provide documentation proving that the seawall is engineered to withstand a tsunami or other large wave.
Respectfully Submitted, Charles Langley, Executive Director Public Watchdogs (858) 384-2139 www.publicwatchdogs.org 7867 Convoy Court, Suite 302, San Diego CA 92111